ML21236A130: Difference between revisions

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{{#Wiki_filter:Status of 10 CFR 50.72(b)
Rulemaking Lisa Regner, Chief Generic Communications and Operating Experience Branch 1
 
===Background===
* August 2018 petition for rulemaking to eliminate all nonemergency event notifications
* SECY-20-0109 recommended rulemaking to:
o Align 10 CFR 50.72(b) with safety and risk significance while taking advantage of advances in technology to improve the flow of information.
o Reduce unnecessary reporting burden for both the NRC and licensees.
* The Commission approved the staff's recommendation to initiate rulemaking 2
 
Next Steps
* Staff Requirements Memorandum direction:
o No Changes to Resident Inspector responsibilities o Consider lessons learned from Review of Administrative Requirements process o Discontinue if the cost of rulemaking does not justify the benefits or degrades the NRCs situational awareness
* Next steps:
o Due May 2022: Regulatory Basis o Public engagement 3
 
Questions?
 
==References:==
 
Letter to the petitioner: ML21211A048 SECY-20-0109 (package): ML20073G004 SRM-SECY-20-0109 (package): ML21209A947 Commission voting record (package): ML21209A923 4}}

Revision as of 16:58, 18 January 2022

Slides for August 24, 2021 ROP Public Meeting Status of 10 CFR 50.72(b) Rulemaking
ML21236A130
Person / Time
Issue date: 08/23/2021
From: Lisa Regner
NRC/NRR/DRO/IOEB
To:
Lisa Regner NRR/DRO/IOEB 415-1906
References
Download: ML21236A130 (4)


Text

Status of 10 CFR 50.72(b)

Rulemaking Lisa Regner, Chief Generic Communications and Operating Experience Branch 1

Background

  • August 2018 petition for rulemaking to eliminate all nonemergency event notifications

o Align 10 CFR 50.72(b) with safety and risk significance while taking advantage of advances in technology to improve the flow of information.

o Reduce unnecessary reporting burden for both the NRC and licensees.

  • The Commission approved the staff's recommendation to initiate rulemaking 2

Next Steps

  • Staff Requirements Memorandum direction:

o No Changes to Resident Inspector responsibilities o Consider lessons learned from Review of Administrative Requirements process o Discontinue if the cost of rulemaking does not justify the benefits or degrades the NRCs situational awareness

  • Next steps:

o Due May 2022: Regulatory Basis o Public engagement 3

Questions?

References:

Letter to the petitioner: ML21211A048 SECY-20-0109 (package): ML20073G004 SRM-SECY-20-0109 (package): ML21209A947 Commission voting record (package): ML21209A923 4